Subprocessors
Last updated: May 15, 2026 Last reviewed: May 15, 2026
Plain-English Summary
Riqmi uses third-party providers to host the app, store backend data, generate AI content, send transactional emails, measure product usage, and process payments. Some providers may process data outside the European Economic Area. Where this happens, we rely on appropriate safeguards such as adequacy decisions, the EU-US Data Privacy Framework where applicable, or Standard Contractual Clauses.
This page may be updated as our infrastructure and service providers change.
1. Operator
Riqmi is operated by:
rebridged.studio s. r. o. Šintava 560 925 51 Šintava Slovakia
Company ID (IČO): 57577013
Contact: hello@riqmi.com
2. Subprocessor Changes
We may update this page from time to time as vendors change or as our infrastructure evolves.
Material changes will be reflected on this page.
Where required by applicable data protection law or our Terms of Service, we will provide notice of material subprocessor changes and allow customers to object on reasonable data protection grounds.
3. Infrastructure and Hosting
| Provider | Purpose | Processing location / notes |
|---|---|---|
| Vercel | Frontend hosting, deployment infrastructure, CDN, request routing, logs | Globally distributed infrastructure; may involve processing outside the EEA |
| Convex | Backend infrastructure, database, application state, storage | EU West Ireland deployment region configured where available; some vendor support or operational subprocessors may involve non-EEA access |
4. AI and Content Generation
| Provider | Purpose | Processing location / notes |
|---|---|---|
| OpenAI | AI-generated content, SEO recommendations, text generation, related generation workflows | May process prompts, generated outputs, and related service data; may involve processing outside the EEA depending on infrastructure, configuration, and applicable service terms |
We do not intentionally send personal data to OpenAI for AI analysis. However, connected business websites may contain publicly available personal data that could be processed incidentally as part of website analysis or content generation.
5. Analytics and Product Improvement
| Provider | Purpose | Processing location / notes |
|---|---|---|
| PostHog | Product analytics, usage measurement, diagnostics, feature interaction analysis | EU-hosted analytics configuration used where available; analytics is configured to minimize personal data where appropriate |
Non-essential analytics are loaded only after consent unless configured in a strictly limited cookieless mode that does not require consent and is supported by a documented legitimate-interest assessment.
6. Payments and Billing
| Provider | Purpose | Processing location / notes |
|---|---|---|
| Polar.sh | Merchant of record, checkout, subscriptions, billing, invoices, tax handling, payment status, fraud and compliance processing | May involve processing in the United States, Ireland, the United Kingdom, and other locations |
Where Polar acts as merchant of record, Polar may process certain checkout, payment, tax, fraud-prevention, compliance, and buyer-transaction data in its own capacity under its own terms and privacy information.
7. Email Delivery
| Provider | Purpose | Processing location / notes |
|---|---|---|
| Resend | Transactional email delivery, delivery logs, bounce handling, service email metadata | Data may be processed or stored in the United States |
8. Connected Integrations
If you connect third-party platforms, CMS tools, publishing destinations, or other integrations, those third parties may process data according to their own terms and privacy policies.
Additional provider-specific privacy terms may apply where users connect third-party integrations or complete checkout through Polar.
You are responsible for ensuring that you have authority to connect any third-party account, website, or integration to Riqmi.
9. International Transfers
Some providers listed above may process data outside the European Economic Area (EEA).
Where international transfers occur, we rely on lawful transfer mechanisms such as:
- adequacy decisions;
- the EU-US Data Privacy Framework where applicable;
- Standard Contractual Clauses approved by the European Commission; and
- supplementary measures where appropriate.
10. Contact
For questions regarding subprocessors or data processing, contact: